Whilde v. Whilde

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Margaret and Hannah lived together in a romantic relationship in Lincoln, Nebraska. They moved to Austin, Texas, in 2003. In 2010, Hannah gave birth to a baby, conceived by artificial insemination. Margaret did not adopt the child. The relationship declined. In 2011, Hannah returned to Otoe with the baby. A Texas court entered a temporary order, finding that Margaret had legal standing to assert rights with respect to the child and setting forth certain rights and duties that the women would share. In 2014, Hannah sought to register the Texas order (Neb. Rev. Stat. 43-1226) and requested that the Nebraska court set aside the Texas order and modify custody. Margaret was living in Nebraska. No effort had been taken to obtain entry of a final order in Texas. Margaret returned to Texas. Her contact with the child was minimal thereafter, Hannah moved to suspend Margaret’s contact with the child because of Margaret’s mental health issues. The Nebraska court preliminarily ordered that there be no contact. The Texas court relinquished its jurisdiction. The Nebraska court determined that Nebraska law applied but considered the effect of the Texas court’s determination and concluded that an in loco parentis relationship “at one time did exist” between Margaret and the child but had ceased after Margaret returned to Texas. The court awarded sole custody to Hannah. The Nebraska Supreme Court affirmed, stating that in loco parentis status is transitory and may be lost. View "Whilde v. Whilde" on Justia Law